Certicom Corporation et al v. Sony Corporation et al

Filing 70

Consent MOTION extend time for witnesses to review transcripts, make changes, re-designate confidentiality level of deposition transcripts SONY'S AGREED-TO MOTION TO EXTEND TIME RELATING TO DEPOSITION TRANSCRIPTS by Sony Computer Entertainment Inc., Sony Computer Entertainment America Inc., Sony Pictures Entertainment Inc., Sony Electronics Inc., Sony DADC US Inc., Sony Corporation, Sony Corporation of America. (Attachments: # 1 Text of Proposed Order)(Wilcox, Melvin)

Download PDF
Certicom Corporation et al v. Sony Corporation et al Doc. 70 UNITED STATES DISTRICT COURT EASTERN DISTRICT OF TEXAS MARSHALL DIVISION CERTICOM CORP. and CERTICOM PATENT HOLDING CORP., Plaint iff, v. SONY CORPORATION, SONY CORPORATION OF AMERICA, SONY COMPUTER ENTERTAINMENT INC., SONY COMPUTER ENTERTAINMENT AMERICA INC., SONY PICTURES ENTERTAINMENT INC., SONY ELECTRONICS INC. and SONY DADC US INC., Defendants. Civil Action No. 2-07-CV-216(TJW) JURY UNOPPOSED SONY'S AGREED-TO MOTION TO EXTEND TIME RELATING TO DEPOSITION TRANSCRIPTS By agreement of the parties, Defendants Sony Corporation, Sony Corporation of America, Sony Computer Entertainment Inc., Sony Computer Entertainment America Inc., Sony Pictures Entertainment Inc., Sony Electronics Inc. and Sony DADC US Inc. (collectively, "Sony") move to extend the time for both (1) witnesses to review transcripts and make a signed statement listing changes for depositions that took place between September 16, 2008 and September 26, 2008 in Tokyo, Japan to November 28, 2008 and (2) to re-designate the confident ialit y level of those transcripts to November 28, 2008. Pursuant to the Protective Order stipulated to in this case the parties would have had until October 29, 2008 to re-designate the confidentiality level of the deposition transcripts. Pursuant to Fed. R. Civ. P. 30(e)(1) the witnesses would have had until November 10, 2008 to review the Dockets.Justia.com transcripts and make a signed statement listing changes. The parties have received the deposition transcripts on October 9, 2008, but only received the corresponding videos in the past week. Accordingly, both parties have agreed to extend the aforementioned deadlines to November 28, 2008. This extension will not affect any dates in the Discovery Order or Docket Control Order. Dated: October 22, 2008 Respect fully submitted, By: /s/ Melvin R. Wilcox, III Melvin R. Wilcox, III Texas Bar No. 21454800 YARBROUGH WILCOX, PLLC 100 E. Ferguson, Suite 1015 Tyler, TX 75702 Tel: (903) 595-1133 Fax: (903) 595-0191 Email: mrw@yw-lawfirm.co m Attorney for Defendants CERTIFICATE OF SERVICE The undersigned certifies that the foregoing document was filed electronically in compliance with Local Rule CV-5(a). As such this document was served on all counsel who are deemed to have consented to electronic service. Local Rule CV-5(a)(3)(A). Pursuant to FED. R. CIV. P. 5(d) and Local Rule CV-5(d), all other counsel of record not deemed to have consented to electronic service were served with a true and correct copy of the foregoing by facsimile, electronic mail, and/or first class mail, on this 22nd day of October, 2008. /s/ Melvin R. Wilcox, III MELVIN R. WILCOX, III

Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.


Why Is My Information Online?